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1 Local Coverage Determination (LCD): Chiropractic Services (L33613) Links in PDF documents are not guaranteed to work. To follow a web link, please use the MCD Website. Contractor Information Contractor Name National Government Services, Inc. Back to Top LCD Information Document Information Contract Number Contract Type MAC - Part B LCD ID L33613 Original ICD-9 LCD ID L27350 LCD Title Chiropractic Services AMA CPT / ADA CDT / AHA NUBC Copyright Statement CPT only copyright American Medical Association. All Rights Reserved. CPT is a registered trademark of the American Medical Association. Applicable FARS/DFARS Apply to Government Use. Fee schedules, relative value units, conversion factors and/or related components are not assigned by the AMA, are not part of CPT, and the AMA is not recommending their use. The AMA does not directly or indirectly practice medicine or dispense medical services. The AMA assumes no liability for data contained or not contained herein. The Code on Dental Procedures and Nomenclature (Code) is published in Current Dental Terminology (CDT). Copyright American Dental Association. All rights reserved. CDT and CDT-2010 are trademarks of the American Dental Association. Jurisdiction Illinois Original Effective Date For services performed on or after 10/01/2015 Revision Effective Date For services performed on or after 10/01/2015 Revision Ending Date N/A Retirement Date N/A Notice Period Start Date N/A UB-04 Manual. OFFICIAL UB-04 DATA SPECIFICATIONS MANUAL, 2014, is copyrighted by American Hospital Association ( AHA ), Chicago, Illinois. No portion of OFFICIAL UB-04 MANUAL may be reproduced, sorted in a retrieval system, or transmitted, in any form or by any means, electronic, mechanical, photocopying, recording or otherwise, without prior express, written consent of AHA. Health Forum reserves the right to change the copyright notice from time to time upon written notice to Company. Notice Period End Date N/A CMS National Coverage Policy Language quoted from Centers for Medicare and Medicaid Services (CMS). National Coverage Determinations (NCDs) and coverage provisions in interpretive manuals is italicized throughout the Printed on 10/1/2015. Page 1 of 10

2 policy. NCDs and coverage provisions in interpretive manuals are not subject to the Local Coverage Determination (LCD) Review Process (42 CFR [b] and 42 CFR 426 [Subpart D]). In addition, an administrative law judge may not review an NCD. See Section 1869(f)(1)(A)(i) of the Social Security Act. Unless otherwise specified, italicized text represents quotation from one or more of the following CMS sources: Title XVIII of the Social Security Act (SSA): Section 1833(e) prohibits Medicare payment for any claim which lacks the necessary information to process the claim. Section 1862(a)(1)(A) excludes expenses incurred for items or services which are not reasonable and necessary for the diagnosis or treatment of illness or injury or to improve the functioning of a malformed body member. Code of Federal Regulations: 42 CFR describes limitations on services of a chiropractor. 42 CFR Section , indicates that diagnostic tests may only be ordered by the treating physician (or other treating practitioner acting within the scope of his or her license and Medicare requirements). CMS Publications: CMS Publication , Medicare General Information, Eligibility and Entitlement Manual, Chapter 5: 70.6 Chiropractors CMS Publication , Medicare Benefit Policy Manual, Chapter 15: 30.5 Physician Services Chiropractor s Services CMS Publication , Medicare Benefit Policy Manual, Chapter 15: 240 Chiropractic Services - General Coverage Guidance Coverage Indications, Limitations, and/or Medical Necessity Abstract: Chiropractic manipulative treatment (CMT) is a form of manual treatment to influence joint and neurophysiological function. This treatment may be accomplished using a variety of techniques. Medicare covers limited chiropractic services when performed by a chiropractor who is licensed or legally authorized to furnish chiropractic services by the State or jurisdiction in which the services are furnished (CMS Publication , Medicare General Information, Eligibility and Entitlement Manual, Chapter 5, Section 70.6). A chiropractor must also meet uniform minimum standards as set forth in the CMS Internet-Only Manual (IOM) Publication 100-1, Chapter 5, Section This policy restates language directly from the CMS Internet-Only manuals and if necessary provides clarification to educate providers on specified Medicare requirements for the diagnosis, treatment, documentation and billing of chiropractic services. Indications Chiropractic Services Active Treatment: The patient must have a significant health problem in the form of a neuromusculoskeletal condition necessitating treatment, and the manipulative services rendered must have a direct therapeutic relationship to the patient s condition and provide reasonable expectation of recovery or improvement of function. The patient must have a subluxation of the spine as demonstrated by x-ray or physical exam. (CMS Publication , Medicare Benefit Policy Manual, Chapter 15, Section ) Most spinal joint problems fall into the following categories: Printed on 10/1/2015. Page 2 of 10

3 Acute subluxation - A patient s condition is considered acute when the patient is being treated for a new injury, identified by x-ray or physical exam as specified above. The result of chiropractic manipulation is expected to be an improvement in, or arrest of progression, of the patient s condition. Chronic subluxation - A patient s condition is considered chronic when it is not expected to significantly improve or be resolved with further treatment (as is the case with an acute condition), but where the continued therapy can be expected to result in some functional improvement. Once the clinical status has remained stable for a given condition, without expectation of additional objective clinical improvements, further manipulative treatment is considered maintenance therapy and is not covered. (CMS Publication , Medicare Benefit Policy Manual, Chapter 15, Section ) An acute exacerbation is a temporary but marked deterioration of the patient s condition that is causing significant interference with activities of daily living due to an acute flare-up of the previously treated condition. The patient s clinical record must specify the date of occurrence, nature of the onset, or other pertinent factors that would support the medical necessity of treatment. As with an acute injury, treatment should result in improvement or arrest of the deterioration within a reasonable period of time. A. Maintenance Therapy Maintenance therapy includes services that seek to prevent disease, promote health and prolong and enhance the quality of life, or maintain or prevent deterioration of a chronic condition. When further clinical improvement cannot reasonably be expected from continuous ongoing care, and the chiropractic treatment becomes supportive rather than corrective in nature, the treatment is then considered maintenance therapy. (CMS Publication , Medicare Benefit Policy Manual, Chapter 15, Section A) B. Contraindications Dynamic thrust is the therapeutic force or maneuver delivered by the physician during manipulation in the anatomic region of involvement. A relative contraindication is a condition that adds significant risk of injury to the patient from dynamic thrust, but does not rule out the use of dynamic thrust. The doctor should discuss this risk with the patient and record this in the chart. (CMS Publication , Medicare Benefit Policy Manual, Chapter 15, Section B) The following are relative contraindications to Dynamic thrust: Articular hyper mobility and circumstances where the stability of the joint is uncertain; Severe demineralization of bone; Benign bone tumors (spine); Bleeding disorders and anticoagulant therapy; and Radiculopathy with progressive neurological signs.(cms Publication , Medicare Benefit Policy Manual, Chapter 15, Section B) Dynamic thrust is absolutely contraindicated near the site of demonstrated subluxation and proposed manipulation in the following: Acute arthropathies characterized by acute inflammation and ligamentous laxity and anatomic subluxation or dislocation; including acute rheumatoid arthritis and ankylosing spondylitis; Acute fractures and dislocations or healed fractures and dislocations with signs of instability; An unstable os odontoideum; Malignancies that involve the vertebral column; Infection of bones or joints of the vertebral column; Signs and symptoms of myelopathy or cauda equina syndrome; For cervical spinal manipulations, vertebrobasilar insufficiency syndrome; and A significant major artery aneurysm near the proposed manipulation.(cms Publication , Medicare Benefit Policy Manual, Chapter 15, Section B) Limitations The term physician under Part B includes a chiropractor who meets the specified qualifying requirements set forth in 30.5 but only for treatment by means of manual manipulation of the spine to correct a subluxation. (CMS Publication , Medicare Benefit Policy Manual, Chapter 15, Section 240) Printed on 10/1/2015. Page 3 of 10

4 Coverage extends only to treatment by means of manual manipulation of the spine to correct a subluxation provided such treatment is legal in the State where performed. All other services furnished or ordered by chiropractors are not covered. (CMS Publication , Medicare Benefit Policy Manual, Chapter 15, Section 30.5) Coverage of chiropractic service is specifically limited to treatment by means of manual manipulation, i.e., by use of the hands. Additionally, manual devices (i.e., those that are hand-held with the thrust of the force of the device being controlled manually) may be used by chiropractors in performing manual manipulation of the spine. However, no additional payment is available for use of the device, nor does Medicare recognize an extra charge for the device itself. (CMS Publication , Medicare Benefit Policy Manual, Chapter 15: Section ) No other diagnostic or therapeutic service furnished by a chiropractor or under the chiropractor s order is covered. This means that if a chiropractor orders, takes, or interprets an x-ray, or any other diagnostic test, the x -ray or other diagnostic test, can be used for claims processing purposes, but Medicare coverage and payment are not available for those services. This prohibition does not affect the coverage of x-rays or other diagnostic tests furnished by other practitioners under the program. For example, an x-ray or any diagnostic test taken for the purpose of determining or demonstrating the existence of a subluxation of the spine is a diagnostic x-ray test covered under 1861(s)(3) of the Act if ordered, taken, and interpreted by a physician who is a doctor of medicine or osteopathy. (CMS Publication , Medicare Benefit Policy Manual, Chapter 15, Section ) The mere statement or diagnosis of "pain" is not sufficient to support medical necessity for the treatments. The precise level(s) of the subluxation(s) must be specified by the chiropractor to substantiate a claim for manipulation of each spinal region(s). The need for an extensive, prolonged course of treatment should be appropriate to the reported procedure code(s) and must be documented clearly in the medical record. The five extraspinal regions referred to are: head (including, temporomandibular joint, excluding atlantooccipital) region; lower extremities; upper extremities; rib care (excluding costotransverse and costovertebral joints) and abdomen (CPT Assistant Nov 98:38). Medicare does not cover chiropractic treatments to extraspinal regions (CPT 98943), which includes the head, upper and lower extremities, rib cage and abdomen. For Medicare purposes, a chiropractor must place an AT modifier on a claim when providing active/corrective treatment to treat acute or chronic subluxation. However the presence of the AT modifier may not in all instances indicate that the service is reasonable and necessary. As always, contractors may deny if appropriate after medical review. (CMS Publication , Medicare Benefit Policy Manual, Chapter 15, Section ) Modifier AT must only be used when the chiropractic manipulation is reasonable and necessary as defined by national policy and the LCD. Modifier AT must not be used when maintenance therapy has been performed. Back to Top Coding Information Bill Type Codes: Contractors may specify Bill Types to help providers identify those Bill Types typically used to report this service. Absence of a Bill Type does not guarantee that the policy does not apply to that Bill Type. Complete absence of all Bill Types indicates that coverage is not influenced by Bill Type and the policy should be assumed to apply equally to all claims. 011x Hospital Inpatient (Including Medicare Part A) 012x Hospital Inpatient (Medicare Part B only) 013x Hospital Outpatient 021x Skilled Nursing - Inpatient (Including Medicare Part A) 022x Skilled Nursing - Inpatient (Medicare Part B only) 023x Skilled Nursing - Outpatient 071x Clinic - Rural Health 073x Clinic - Freestanding 077x Clinic - Federally Qualified Health Center (FQHC) 085x Critical Access Hospital Revenue Codes: Printed on 10/1/2015. Page 4 of 10

5 Contractors may specify Revenue Codes to help providers identify those Revenue Codes typically used to report this service. In most instances Revenue Codes are purely advisory; unless specified in the policy services reported under other Revenue Codes are equally subject to this coverage determination. Complete absence of all Revenue Codes indicates that coverage is not influenced by Revenue Code and the policy should be assumed to apply equally to all Revenue Codes. Revenue codes only apply to providers who bill these services to the Part A MAC. Revenue codes do not apply to physicians, other professionals and suppliers who bill these services to the carrier or Part B MAC. Please note that not all revenue codes apply to every type of bill code. Providers are encouraged to refer to the FISS revenue code file for allowable bill types. Similarly, not all revenue codes apply to each CPT/HCPCS code. Providers are encouraged to refer to the FISS HCPCS file for allowable revenue codes. All revenue codes billed on the inpatient claim for the dates of service in question may be subject to review Clinic - General Classification 0520 Freestanding Clinic - General Classification 0960 Professional Fees - General Classification CPT/HCPCS Codes Group 1 Paragraph: N/A Group 1 Codes: CHIROPRACTIC MANIPULATIVE TREATMENT (CMT); SPINAL, 1-2 REGIONS CHIROPRACTIC MANIPULATIVE TREATMENT (CMT); SPINAL, 3-4 REGIONS CHIROPRACTIC MANIPULATIVE TREATMENT (CMT); SPINAL, 5 REGIONS ICD-10 Codes that Support Medical Necessity Group 1 Paragraph: The use of an ICD-10-CM code listed below does not assure coverage of a service. The service must be reasonable and necessary in the specific case and must meet the criteria specified in this determination. The diagnosis must indicate the level of the subluxation Group 1 Codes: ICD-10 Codes Description M99.01 Segmental and somatic dysfunction of cervical region M99.02 Segmental and somatic dysfunction of thoracic region M99.03 Segmental and somatic dysfunction of lumbar region M99.04 Segmental and somatic dysfunction of sacral region M99.05 Segmental and somatic dysfunction of pelvic region ICD-10 Codes that DO NOT Support Medical Necessity N/A ICD-10 Additional Information Back to Top General Information Associated Information Documentation Requirements: The patient's medical record must contain documentation that fully supports the medical necessity for services included within this LCD. (See "Indications and Limitations of Coverage.") This documentation includes, but is not limited to, relevant medical history, physical examination, and results of pertinent diagnostic tests or procedures. Printed on 10/1/2015. Page 5 of 10

6 The precise level of subluxation must be specified by the chiropractor to substantiate a claim for manipulation of the spine. The level of spinal subluxation must bear a direct causal relationship to the patient's symptoms, and the symptoms must be directly related to the level of the subluxation that has been diagnosed. Dynamic thrust is the therapeutic force or maneuver delivered by the physician during manipulation in the anatomic region of involvement. A relative contraindication is a condition that adds significant risk of injury to the patient from dynamic thrust, but does not rule out the use of dynamic thrust. The doctor should discuss this risk with the patient and record this in the chart. The need for an extensive, prolonged course of treatment must be clearly documented in the medical record. Treatment should result in improvement or arrest of deterioration of subluxation within a reasonable and generally predictable period of time. The word correction may be used in lieu of treatment. Also, a number of different terms composed of the following words may be used to describe manual manipulation: Spine or spinal adjustment by manual means; Spine or spinal manipulation; Manual adjustment; and Vertebral manipulation or adjustment.(cms Publication , Medicare Benefit Policy Manual, Chapter 15, Section ) Documentation Requirements: History The history recorded in the patient record should include the following: Symptoms causing patient to seek treatment; Family history if relevant; Past health history (general health, prior illness, injuries, or hospitalizations; medications; surgical history); Mechanism of trauma; Quality and character of symptoms/problem; Onset, duration, intensity, frequency, location and radiation of symptoms; Aggravating or relieving factors; and Prior interventions, treatments, medications, secondary complaints (CMS Publication , Medicare Benefit Policy Manual, Chapter 15, Section ). Documentation Requirements: Initial Visit The following documentation requirements apply whether the subluxation is demonstrated by x-ray or by physical examination: 1. History as stated above. Printed on 10/1/2015. Page 6 of 10

7 2. Description of the present illness including: Mechanism of trauma; Quality and character of symptoms/problem; Onset, duration, intensity, frequency, location, and radiation of symptoms; Aggravating or relieving factors; Prior interventions, treatments, medications, secondary complaints; and Symptoms causing patient to seek treatment. These symptoms must bear a direct relationship to the level of subluxation. The symptoms should refer to the spine (spondyle or vertebral), muscle (myo), bone (osseo or osteo), rib (costo or costal) and joint (arthro) and be reported as pain (algia), inflammation (itis), or as signs such as swelling, spasticity, etc. Vertebral pinching of spinal nerves may cause headaches, arm, shoulder, and hand problems as well as leg and foot pains and numbness. Rib and rib/chest pains are also recognized symptoms, but in general other symptoms must relate to the spine as such. The subluxation must be causal, i.e., the symptoms must be related to the level of the subluxation that has been cited. A statement on a claim that there is pain is insufficient. The location of pain must be described and whether the particular vertebra listed is capable of producing pain in the area determined. 3. Evaluation of musculoskeletal/nervous system through physical examination. 4. Diagnosis: The primary diagnosis must be subluxation, including the level of subluxation, either so stated or identified by a term descriptive of subluxation. Such terms may refer either to the condition of the spinal joint involved or to the direction of position assumed by the particular bone named. 5. Treatment Plan: The treatment plan should include the following: Recommended level of care (duration and frequency of visits); Specific treatment goals; and Objective measures to evaluate treatment effectiveness. 6. Date of the initial treatment.(cms Publication , Medicare Benefit Policy Manual, Chapter 15, Section A) Documentation Requirements: Subsequent Visits The following documentation requirements apply whether the subluxation is demonstrated by x-ray or by physical examination: 1. History Review of chief complaint; Changes since last visit; System review if relevant. 2. Physical exam Exam of area of spine involved in diagnosis; Assessment of change in patient condition since last visit; Evaluation of treatment effectiveness; Documentation of the presence or absence of a subluxation must be present at every visit. 3. Documentation of treatment given on day of visit. (CMS Publication , Medicare Benefit Policy Manual, Chapter 15, Section B) 4. Progress or lack thereof, related to treatment goals and plan of care. Printed on 10/1/2015. Page 7 of 10

8 Documentation: X-Ray/CT/MRI An x-ray may be used to document subluxation. The x-ray must have been taken at a time reasonably proximate to the initiation of a course of treatment. Unless more specific x-ray evidence is warranted, an x-ray is considered reasonably proximate if it was taken no more than 12 months prior to or 3 months following the initiation of a course of chiropractic treatment. In certain cases of chronic subluxation (e.g., scoliosis), an older x-ray may be accepted provided the beneficiary s health record indicates the condition has existed longer than 12 months and there is a reasonable basis for concluding that the condition is permanent. A previous CT scan and/or MRI is acceptable evidence if a subluxation of the spine is demonstrated. (CMS Publication , Medicare Benefit Policy Manual, Chapter 15, Section ) If the diagnostic studies have been taken in a hospital or outpatient facility, a written report, including interpretation and diagnosis by a physician must be present in the patient's medical record. Documentation of the chiropractor's review of the x-ray (MRI/CT ) noting the level of subluxation must be maintained in the medical record. Documentation: P.A.R.T Evaluation Process The P.A.R.T. evaluation process is recommended as the examination alternative to the previously mandated demonstration of subluxation by x-ray/mri/ct for services beginning January 1, The acronym P.A.R.T. identifies diagnostic criteria for spinal dysfunction (subluxation). P - Pain/tenderness: The perception of pain and tenderness is evaluated in terms of location, quality, and intensity. Most primary neuromusculoskeletal disorders manifest primarily by a painful response. Pain and tenderness findings may be identified through one or more of the following: observation, percussion, palpation, provocation, etc. Furthermore, pain intensity may be assessed using one or more of the following; visual analog scales, algometers, pain questionnaires, etc. A - Asymmetry/misalignment: Asymmetry/misalignment may be identified on a sectional or segmental level through one or more of the following: observation (posture and heat analysis), static palpation for misalignment of vertebral segments, diagnostic imaging, etc. R - Range of motion abnormality: Changes in active, passive, and accessory joint movements may result in an increase or a decrease of sectional or segmental mobility. Range of motion abnormalities may be identified through one or more of the following: motion palpation, observation, stress diagnostic imaging, range of motion, measurement(s), etc. T -Tissue tone, texture, and temperature abnormality: Changes in the characteristics of contiguous and associated soft tissue including skin, fascia, muscle and ligament may be identified through one or more of the following procedures: observation, palpation, use of instrumentation, test of length and strength, etc. To demonstrate a subluxation based on physical examination, two of the four criteria mentioned above, one of which must be asymmetry/misalignment or range of motion abnormality, should be documented. Documentation of changes in the patient s examination, status, progression and care plan should be maintained in the records at each visit. The evaluation process must be an ongoing procedure. Even if a complete and thorough examination can be completed during the first visit, signs and certain symptoms must be rechecked during the course of treatment to determine the extent of the patient progress. Standardized measurement scales (e.g., Visual Analogue Scale (VAS), Oswestry Disability Questionnaire, and the Quebec Back Pain Disability Scale) may be used to measure improvement or lack thereof. This ongoing evaluation and assessment forming the basis for treatment modification is a key factor in total patient management. The initial examination, no matter how thorough, cannot be expected to provide all the answers. A treatment trial should be instituted with its effects assessed to determine whether it should be continued or a different plan devised. Moreover, it is the examination that forms the foundation for treatment, guiding the doctor in selecting appropriate treatment techniques, frequency, and course of treatment. Appendices: Not applicable Utilization Guidelines: A chiropractic manipulation service for a beneficiary can only be reimbursed once per day. Printed on 10/1/2015. Page 8 of 10

9 Chiropractic manipulative therapy to treat the cervical abnormality responsible for acute episodes of episodes of cervicogenic headaches meeting HIS or Syaastad s criteria will be allowed. Maintenance therapy for cervicogenic headaches will not be allowed. The frequency and duration of chiropractic treatment must be medically necessary and based on the individual patient s condition and response to treatment. When services are performed and billed in a manner suggesting inappropriate or excessive utilization, they may be subject to review for medical necessity. Sources of Information and Basis for Decision This bibliography presents those sources that were obtained during the development of this policy. National Government Services is not responsible for the continuing viability of Web site addresses listed below. Carrier Advisory Committee National Government Services and other Medicare contractors local coverage determinations. Astin JA, Ernest W. The effectiveness of spinal manipulation for the treatment of headache disorders: a systematic review of randomized clinical trials. Cephalgia. 2002;22: Brantingham JW. A critical look at the subluxation hypothesis. J Manipulative Physiol Ther. 1988;11: Brantingham JW. A critical look at the subluxation hypothesis In reply. J Manipulative Physiol Ther. 1989;12: Bronfort G, Assendelft JJ, Evans R, Haas M, Bouter L. Efficacy of spinal manipulation for chronic headache: a systematic review. J Manipulative Physio Ther. 2001;24(7): Cherkin DC, Mootz RD (editors). Chiropractic in the United States: Training, Practice, and Research. AHCPR Publication No. 98-N002. Agency for Health Care Policy and Research. Public Health Service, U.S. Department of Health and Human Services, December Haldeman S, Chapman-Smith D, Petersen DM. Guidelines for chiropractic quality assurance and practice parameters. Proceedings of the Mercy Center Consensus Conference. Aspen Publishers, Inc Jull G, Trott P, Potter H, et al. A randomized controlled trial of exercise and manipulative therapy for cervicogenic headache. Spine. 2002;27(17): Leboeuf-Yde C. How real is the subluxation? A research perspective. J Maniulative Physio Ther. 1998;21: Nillson N, Christensen HW, Hartvigsen J. The effects of spinal manipulation in the treatment of cervicogenic headache. J Manipulative Physiol Ther. 1997;20: Sjaastad O, Fredriksen A, Pfaffenrath V. Cervicogencic headace: diagnostic criteria. Headache. 1998;38: Tullberg T, Blomberg S, Branth B, et al. Manipulation does not alter the position of the sacroiliac joint: a roentgen stereophotogrammetric analysis. Spine. 1998;23(10): Back to Top Revision History Information Please note: Most Revision History entries effective on or before 01/24/2013 display with a Revision History Number of "R1" at the bottom of this table. However, there may be LCDs where these entries will display as a separate and distinct row. Revision Revision History History Date Number 10/01/2015 R2 10/01/2015 R1 Revision History Explanation In consideration of the revision to this LCD that will be effective December 1, 2015, and ICD-10 coding concerns, the secondary diagnosis list has been removed. Reason(s) for Change Provider Education/Guidance Printed on 10/1/2015. Page 9 of 10

10 Revision History Date Revision History Number Revision History Explanation The following ICD-10 codes were added: M40.55, M40.56, M40.57 and M53.86 and ICD-10 code M40.50 has been removed. The following ICD-10 codes were revised to add the 7th digit for D=subsequent encounter and S=sequela, where the 7th digit, A=initial encounter, was already included (S13.4XXA, S13.8XXA, S16.1XXA, S23.3XXA, S23.8XXA, S33.5XXA, S33.6XXA and S33.8XXA). The 7th digit for D=subsequent encounter has been added for the following ICD- 10 codes: S14.2XXD, S24.2XXD and S34.22XD. Reason(s) for Change Revisions Due To ICD-10-CM Code Changes Back to Top Associated Documents Attachments N/A Related Local Coverage Documents Article(s) A Chiropractic Services Supplemental Instructions Article Related National Coverage Documents N/A Public Version(s) Updated on 09/25/2015 with effective dates 10/01/ N/A Updated on 08/31/2015 with effective dates 10/01/ N/A Updated on 04/02/2014 with effective dates 10/01/ N/A Back to Top Keywords Chiro Manipulation Treatment Plan P.A.R.T. Read the LCD Disclaimer Back to Top Printed on 10/1/2015. Page 10 of 10

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